Malaysia
Corporate - Tax credits and incentives
Last reviewed - 13 December 2024Malaysia has a wide variety of incentives covering the major industry sectors. Tax incentives can be granted through income exemption or by way of allowances. Where incentives are given by way of allowances, any unutilised allowances may be carried forward indefinitely to be utilised against future statutory income, except for certain incentives, such as reinvestment allowance and investment allowance for approved service projects, where a seven-year limitation applies.
The following are the major types of incentives available in Malaysia.
Pioneer status (PS) and investment tax allowance (ITA)
Companies in the manufacturing, agricultural, and hotel and tourism sectors, or any other industrial or commercial sector, that participate in a promoted activity or produce a promoted product may be eligible for either PS or ITA.
PS is given by way of exemption from CIT on 70% of the statutory income for five years and the remaining 30% is taxed at the prevailing CIT rate. ITA is granted on 60% qualifying capital expenditure incurred for a period of five years and is utilised against 70% of the statutory income, while the 30% balance is taxed at the prevailing CIT rate.
A company that intends to undertake reinvestment before expiration of its PS or ITA status may opt for reinvestment allowance, provided it surrenders its PS or ITA status.
The PS and ITA incentives are enhanced for the following types of projects:
Qualifying industry | Pioneer status | Investment tax allowance | ||
Incentive | TRP (1) | Incentive | TRP (1) | |
Projects of national and strategic importance involving heavy capital investment and high technology. | 100% of SI (2) | 5 + 5 | 100% QCE (3) against 100% SI | 5 |
High-technology companies engaged in areas of new and emerging technologies. | 100% of SI | 5 | 60% QCE against 100% SI | 5 |
Companies manufacturing specialised machinery and equipment. | 100% of SI | 10 | 100% QCE against 100% SI | 5 |
Companies providing technical and vocational training, and private higher education institutions providing qualifying vocational / science courses. | - | - | 100% QCE against 70% SI | 10 |
New companies investing and existing companies reinvesting in utilising oil palm biomass to produce value-added products. | 100% of SI | 10 | 100% QCE against 100% SI | 5 |
Small scale companies (defined) that meet with specified conditions. | 100% of SI | 5 | 60% QCE against 100% SI | 5 |
Notes
- Tax relief period (in terms of years).
- Statutory income.
- Qualifying capital expenditure.
Special incentive schemes
Reinvestment allowance
A resident company in operation for not less than 36 months that incurs capital expenditure to expand, modernise, automate, or diversify its existing manufacturing business or approved agricultural project is entitled to reinvestment allowance as follows:
- The allowance is given for 15 years from the first year of claim.
- The allowance is computed at 60% of QCE incurred and can be utilised against 70% of statutory income.
- The 70% restriction does not apply to projects that have achieved the level of productivity as prescribed by the Minister of Finance.
- The allowance will be withdrawn if the asset for which the allowance is granted is disposed of within five years.
Approved service projects
A resident company undertaking a project approved by the Minister of Finance in the transportation, communications, utilities, and services subsectors may enjoy the following incentives:
- Investment allowance of 60% of QCE incurred within five years to be utilised against 70% of statutory income, or income tax exemption of 70% of statutory income for a period of five years.
- Buildings used solely for the purposes of such projects qualify for an industrial building allowance.
Export incentives
A resident company engaged in manufacturing or agriculture that exports manufactured products, agricultural produce, or services is entitled to allowances between 10% and 100% of value of increased exports (subject to satisfying prescribed conditions), which is deductible at up to 70% of statutory income.
New Industrial Master Plan 2030: Reinvestment incentives
The reinvestment incentive under the New Industrial Master Plan 2030 (NIMP 2030) was introduced with the objective is to encourage existing companies that have exhausted their reinvestment allowance incentive period to continue to invest in high-growth and high-value activities under the NIMP 2030. The following reinvestment incentives is provided to existing manufacturing companies (specified products / activities) undertaking expansion or diversification projects, which adopts Industrial Revolution 4.0 (IR 4.0) technologies:
- Tier 1 - ITA of 100% of QCE incurred within five years to be utilised against 100% of statutory income, or
- Tier 2 - ITA of 60% of QCE incurred within five years to be utilised against 70% of statutory income
Applications can be submitted from 1 January 2024 to 31 December 2028.
Regional operations
International trading company
International trading companies are exempted on income equivalent to 20% of increased export value to be set off against a maximum of 70% of statutory income, for a period of five years. To qualify for the incentive, the company must meet the following three conditions:
- Incorporated in Malaysia, with 60% Malaysian ownership.
- Achieve minimum annual sales of MYR 10 million, of which not more than 20% of its annual sales may be derived from the trading of commodities.
- Use local services (banking, finance, and insurance) and infrastructure (local ports and airports) in its operations.
Global Services Hub
Global Services Hub tax incentive is available for multinational corporations which use Malaysia as a base for regional and global operations. The incentive is and trading (applications made by 31 December 2027):
- New company – CIT rate of 5% or 10% for up to ten years
- Existing company - CIT rate on value-added income at 5% or 10% for five
- Non-citizen individuals (monthly salary of at least MYR 35,000) holding key / C-Suite positions will enjoy a personal income tax rate of 15% for three years (limited to three individuals)
Financial services sector
Islamic fund management
Income tax exemption of up to 60% of statutory income is available for management fees received by resident fund management companies for managing funds of foreign and local investors established under Syariah principles (until year of assessment 2027). Such funds must be approved by the Securities Commission.
Tun Razak Exchange (TRX) (formerly known as Kuala Lumpur International Financial District)
The TRX is an integrated property development comprising office towers for finance and banking, residences, and retail spaces in Kuala Lumpur. To accelerate the development of the TRX, the following incentives have been given:
- Income tax exemption of 70% of statutory income from the disposal of any building or rights over a building, or part thereof, for five years up to year of assessment 2025, for property developers in TRX.
- Income tax exemption of 70% of statutory income from the rental of any building, or part thereof, for five years up to year of assessment 2027, for property developers in TRX.
- Additional 50% tax deduction of rental payment incurred by TRX Marquee status companies for buildings used for business in TRX.
- 10% industrial building allowance for TRX Marquee status companies for qualifying building expenditure that is incurred up to 31 December 2025.
- Accelerated capital allowance incentive for renovation costs incurred by TRX Marquee status companies up to 31 December 2025.
- Single deduction for prescribed relocation costs incurred by TRX Marquee status companies for relocation that takes place not later than 31 December 2025.
Real estate investment trusts (REIT)/Property trust fund (PTF)
REIT/PTFs are vehicles that mobilise funds from unit holders comprising individuals and companies for investments in the property sector and related assets. REIT/PTFs are exempted from tax on all income, provided that at least 90% of their total income is distributed to unit holders. This exemption only applies to REIT/PTFs that are listed on the Bursa Malaysia. If the 90% distribution condition is not complied with, all income will be taxed at the prevailing income tax rate at the REIT/PTF level and tax credit will be claimed by the unit holders on distributions received from the REIT/PTF.
Unit holders are taxed as follows:
Unit holders | WHT rate |
Individuals (whether resident or non-resident), body of persons, or other unincorporated persons | 10% (until year of assessment 2025) |
Non-resident company | 24% |
Resident company | None (income to be included in annual tax return) |
Foreign institutional investors (pension fund, collective investment scheme, or other person approved by the Minister of Finance), and other unit holders not falling in the above-mentioned categories. | 10% (until year of assessment 2025) |
Other incentives available are:
- Real property gains tax and stamp duty exemptions on disposal/transfer of real property to an REIT/PTF.
- Tax deduction given for consultancy, legal, and valuation service fees incurred on the establishment of an REIT.
Venture capital company (VCC)
A VCC investing in a venture company (VC), which is not the VCC’s related company at the point of first investment, will be given a deduction on the value of investment made in a VC until 31 December 2026. Where the deduction is not claimed, the VCC is eligible for the following income tax exemption on income from all sources, other than interest income from savings or fixed deposits, and profits from Syariah-based deposits:
Conditions | Exemption period |
At least 50% of invested funds is invested in VC in the form of seed capital financing, start-up financing, or early-stage financing. |
Five years of assessment |
Petroleum sector
The following incentives are provided for petroleum operations:
- Investment allowance of 60% of QCE (on specified qualifying projects) to be utilised against 70% statutory income for a period of ten years.
- Exemption for a portion of chargeable income from marginal fields resulting in a reduction of the effective tax rate from 38% to 25% for petroleum operations in marginal fields.
- Investments in Late-Life Asset upstream projects (until 31 December 2029):
- Petroleum income tax rate at 25%
- Accelerated capital allowance within two years
- Carry back of losses from decommissioning activities to two consecutive preceding years of assessment
- Export duty exemption on petroleum products
- Deduction for pre-petroleum agreement expenditure for ten years of assessment for agreements executed from 1 January 2024 (subject to conditions).
Special economic regions
Various incentives are provided for these special economic regions. The following are some of the incentives available for specific sectors of the special economic region.
Johor-Singapore Special Economic Zone
On 7 January 2025, Malaysia and Singapore formally entered into an agreement to establish the Johor-Singapore Special Economic Zone, or JS-SEZ. JS-SEZ is a special economic zone aimed at capitalising on the existing synergies between Johor and Singapore to unlock greater economic potential. It comprises the following nine flagship areas and associated tax incentive packages (applications to be made by 31 December 2034 unless specified otherwise):
Flagship area | Qualifying sector / activity | Tax incentive | |
A |
Johor Bahru Waterfront |
Global Services Hub |
CIT rate of 5% up to 15 years |
B |
Iskandar Puteri |
||
C |
Tanjung Pelepas |
Smart Logistics Complex |
ITA of 100% on qualifying capital expenditure (QCE) incurred within 5 years, against 100% SI |
D |
Tanjung Langsat – Kong Kong |
Manufacturing of downstream specialty chemicals |
|
E | Senai – Skudai |
|
|
F | Kulai - Sedenak |
Manufacturing sector in:
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G | Desaru – Penawar | Integrated Tourism Project |
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H | Pengerang Integrated Petroleum Complex (PIPC) – applications to be made by 31 December 2028 | Chemical and petrochemical manufacturing company (capital investment of at least MYR 500 million) |
|
Developers of industrial areas in the PIPC |
|
||
I | Forest City Special Financial Zone | Global Services Hub | CIT rate of 5% up to 20 years |
Smart Logistics Complex | ITA of 100% on QCE incurred within 5 years, against 100% SI | ||
Family offices | CIT rate of 0% up to 20 years on income generated by the Single Family Office Vehicle certified by Securities Commission | ||
Financial global business services | CIT rate of 5% for operators of financial global business services, financial technology (fintech) and foreign payment systems | ||
Knowledge workers | 15% personal income tax for individuals employed as knowledge workers | ||
Relocation of services in specified areas (e.g. R&D, medical device testing, assessment laboratories, etc.) | CIT rate of 5% up to 20 years | ||
Flagship areas A to G | Accelerated capital allowance on qualifying renovation cost incurred on a building or part of commercial building located in flagship areas A to G. | ||
All flagship areas | 15% personal income tax rate for up to 10 years for individuals employed as knowledge workers in JS-SEZ qualifying sectors |
The following special economic regions were launched as part of the Malaysian government’s plan for regional growth and development:
Economic region | Location |
Iskandar Malaysia: www.iskandarmalaysia.com.my/ | Southern Johor |
Northern Corridor Economic Region: www.ncer.com.my | States of Perlis, Kedah, Penang, and northern Perak |
East Coast Economic Region: www.ecerdc.com.my | States of Kelantan, Terengganu, Pahang, and district of Mersing in Johor |
Sabah Development Corridor: www.sedia.com.my | Western, central, and eastern regions of Sabah |
Sarawak Corridor of Renewable Energy: www.recoda.gov.my | Central Sarawak |
Malaysia Digital (MD)
Malaysia Digital (MD) is Malaysia’s initiative for the global information technology (IT) industry and is designed to be the research and development (R&D) centre for industries based on IT. It is an information and communication technology (ICT) hub equipped with high-capacity global telecommunications and logistics networks. MD is also supported by secured cyber laws, strategic policies, and a range of financial and non-financial incentives for investors. It is managed by the Multimedia Development Corporation (MDeC), a ‘one-stop shop’ that acts as the approving authority for companies applying for MD status.
MD status is awarded to companies that develop or use multimedia technologies to produce or enhance their products and services as well as for process development. The tax incentives (applications by 31 December 2027) in the table below are available for MD companies proposing to undertake qualifying activities by leveraging any of the following promoted tech enablers:
- Artificial intelligence (AI) and/or big data analytics (BDA).
- Internet of things (IoT).
- Cybersecurity.
- Cloud.
- Blockchain.
- Drone technology.
- Creative media technology, including extended reality (XR) and/or mixed reality (MR).
- Integrated circuit (IC) design with embedded software.
- Robotics and/or automation.
- Advanced network connectivity and/or telecommunication technology.
New investments | Expansion investments | |
Reduced tax rate* |
|
15% on statutory income for qualifying IP income and non-IP income |
Investment tax allowance (ITA)* |
|
|
Incentive period |
Ten years for reduced tax rate and five years for ITA |
Five years |
* The reduced tax rate and ITA incentives are mutually exclusive.
Digital Ecosystem Acceleration (DESAC) Scheme
To support the comprehensive development of national digital ecosystem, outcome-based incentives are provided for qualifying activities of:
- Submarine cable including cable landing station
- Data centre and cloud computing / data centre and data hosting
The tax incentives available under the DESAC scheme (applications to be made by 31 December 2027) are:
- New company – ITA of 100% / 60% on QCE against 100% of statutory income, or CIT rate of 10% / 15% on statutory income, for up to ten years.
- Existing company – ITA of 60% / 30% on QCE against 70% of statutory income for up to five years.
Green incentives
Green technology assets for own consumption
Companies that undertake any of the following green technology projects for own consumption will be eligible for the following incentives (applications to be received by 31 December 2026):
- Tier 1: ITA of 100% of QCE against 70% statutory income for QCE incurred during the period 1 January 2024 to 31 December 2026 in the following qualifying activities:
- Battery energy storage system.
- Green building.
- Qualifying assets approved by the Minister.
- Tier 2: ITA of 60% of QCE against 70% statutory income for QCE incurred during the period 1 January 2024 to 31 December 2026 in the following qualifying activities:
- Renewable energy project.
- Energy efficiency.
- Qualifying assets approved by the Minister.
Green technology projects for business
The following incentives are available for green technology projects undertaken for business purposes (applications to be received by 31 December 2026):
1. Tier 1 - ITA of 100% of QCE against 100% / 70% statutory income for QCE incurred for a period up to ten years in relation to green hydrogen.
2. Tier 2 - ITA of 100% of QCE against 100% statutory income for QCE incurred for a period of five years in the following qualifying activities:
-
- Integrated waste management
- Electric vehicle charging station
3. Tier 3 - ITA of 100% of QCE against 70% statutory income for QCE incurred for a period of five years in the following qualifying activities:
- Biomass
- Biogas
- Mini hydro
- Geothermal
- Solar
- Wind energy
Solar leasing
Companies engaged in solar leasing are eligible for income tax exemption of 70% of statutory income for five or ten years based on the energy production capacity (applications to be made by 31 December 2026).
Manufacture of electric vehicle (EV) charging equipment
The following incentives are available for new and existing companies undertaking expansion and/or diversification for manufacturing of EV charging equipment (applications by 31 December 2025):
- Income tax exemption of 100% statutory income for years of assessment 2023 to 2032.
- ITA of 100% on QCE incurred within five years to be set-off against 100% of statutory income.
Research and development (R&D)
Contract R&D company
Companies that provide R&D services to third parties are eligible for:
- PS of 100% of statutory income for five years (extendable by five years), or
- ITA of 100% of QCE incurred within a period of ten (extendable by ten years) to be utilised against 70% of statutory income.
R&D company
ITA of 100% of QCE for a period of ten years (extendable by ten years) to be utilised against 70% of statutory income.
In-house R&D
Companies undertaking in-house R&D projects are eligible for ITA at the rate of 50% of QCE incurred within a period of ten years (extendable by ten years) to be utilised against 70% of statutory income.
Commercialisation of resource-based R&D findings
A company that invests for the sole purpose of financing a project on commercialisation of resource-based R&D findings (which is wholly owned by a public research institute or public or private institute of higher learning in Malaysia) is given a deduction equivalent to the value of that investment.
The subsidiary undertaking the commercialisation of R&D findings is granted 100% tax exemption on statutory income for ten years.
Other incentives
Aerospace industry
The following incentives are available for the companies undertaking high-value activities in manufacturing or assembly; repair, maintenance, or overhaul; and related engineering and design in the aerospace industry (applications to be received by 31 December 2025).
A new company is eligible for:
- income tax exemption of 70% or 100% on statutory income for a period of five or ten years, or
- ITA of 60% or 100% of QCE incurred within five years to be set-off against 70% or 100% of statutory income.
An existing company undertaking an expansion and diversification project is eligible for ITA of 60% of QCE incurred within five years to be set-off against 70% of statutory income.
Smart Logistic Complex (SLC)
An SLC is a state-of-the-art facility that leverages technology to streamline and automate warehouse operations. The SLC must be at least 30,000 m2 in built-up areas. ITA of 60% on QCE incurred within five years against 70% statutory income is available to an Investor Operator SLC and an Operator SLC (applications to be made by 31 December 2027). The qualifying logistic services are:
- Regional distribution centre
- Integrated logistics services
- Dangerous goods storage
- Cold chain facility
Shipbuilding and repairing (SBSR)
The following incentives are available for SBSR (applications to be received by 31 December 2027):
- Tax exemption of 70% of statutory income for five years, or ITA of 60% of QCE incurred within five years to be set off against 70% statutory income, for new companies.
- ITA of 60% of QCE incurred within five years to be set off against 70% statutory income for existing companies that have not enjoyed the SBSR incentive.
Incentives for Mines Wellness City (MWC)
The following incentives are available for MWC:
Incentive | Application period | |
Operator |
|
Applications received by 31 December 2026. |
Developer | Income tax exemption on rental income from the first year of assessment statutory income is derived until year of assessment 2026. | Applications received on or after 1 January 2013. |
Automation Capital Allowance
Companies that have engaged in manufacturing / services activities for at least 36 months are eligible for the Automation Capital Allowance incentive of 200% on expenditure up to MYR 10 million incurred within the years of assessment 2023 to 2027. The expenditure incurred must be on more technologically advanced automation machinery / equipment used directly in the manufacturing / services activities and which results in reduced man hours and increased productivity. The machinery, equipment, software, or systems must have an adaptation of at least one of the IR 4.0 elements such as big data analytics, cloud computing, augmented reality, cybersecurity, artificial intelligence, additive manufacturing, system integration, simulation, internet of things, autonomous robots, and advanced materials.
Foreign tax credit
See Foreign income in the Income determination section for a discussion of the foreign tax credit regime.